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Tax
Transfer Pricing
Austria
Schoenherr Attorneys at Law
The General Court (GC) of the European Union ruled in favour of Apple in the state aid case regarding Apple's Irish tax structure, annulling the 2016 decision of the European Commission (EC).
Canada
Osler, Hoskin & Harcourt LLP
The OECD recently released blueprint reports on Pillar One and Pillar Two and launched a public consultation process on its two-pillar approach to international tax reform, with comments ...
Rotfleisch & Samulovitch P.C.
The Canada Revenue Agency (CRA) has been auditing Bayer Canada for its 2013 to 2015 taxation years since 2016.
McCarthy Tétrault LLP
On June 26, 2020, the Federal Court of Appeal dismissed the Minister of National Revenue's appeal of the Tax Court of Canada's decision that reversed ...
Borden Ladner Gervais LLP
On June 26, 2020, the Federal Court of Appeal (FCA) issued a unanimous decision upholding the decision of the Tax Court of Canada in Cameco Corporation v The Queen.
Osler, Hoskin & Harcourt LLP
In a unanimous decision, the Federal Court of Appeal upheld the Tax Court's decision that Cameco's transactions with its Swiss subsidiary were on arm's length terms and, therefore, compliant with Canada's transfer pricing rules and their underlying policy.
Gowling WLG
On June 23, two senior Canada Revenue Agency ("CRA") officials outlined a status update on tax controversy and dispute resolution at this stage of the COVID-19 pandemic.
Cyprus
Ernst & Young
Mandatory disclosure rules are not something new for European Member States ("EU MS").
Premioserve
Our Firm is the winner in the category of Transfer Pricing Advisory Firm of the Year in Cyprus – 2020.
Premioserve
For many businesses, their IPs is the main profit driver. This is more prominent in the digital era and economy in nowadays. The IP is amongst the main reasons why some businesses...
European Union
ATOZ Tax Advisers
On 15 July 2020, in the Apple case, the EU judges (General Court) concluded for the second time in less than one year that the EU Commission failed to demonstrate that by issuing a tax ruling dealing with transfer pricing matters, ...
Jones Day
The Development: The EU General Court annulled the European Commission's decision in the Apple case, holding that the Commission did not prove that the Irish tax rulings in question...
Hong Kong
Withers LLP
Investors often set up their investment structure in offshore jurisdictions such as the British Virgin Islands and Cayman Islands.
India
Khaitan & Co
In line with Government's widely promoted objective of ensuring efficiency and transparency in tax administration...
Nexdigm Private Limited
We are pleased to present the latest edition of Tax Street – our newsletter that covers all the key developments and updates in the realm of taxation in India and across the globe...
Nexdigm Private Limited
Various factors have been developed over the years to step up the scrutiny of transfer pricing arrangements. Overdue outstanding receivables is yet another area that has been in litigation.
Nexdigm Private Limited
The Inland Revenue Authority of Singapore (IRAS) announced a series of support measures to help businesses and individuals. Read ahead for an evaluation of the ...
Nexdigm Private Limited
We are pleased to present the latest edition of Tax Street – our newsletter that covers all the key developments and updates in the realm of taxation in India and across the globe for the month...
BDO India LLP
India is still a maturing tax jurisdiction especially on the international taxation front. The Indian tax landscape has been fraught with multifarious and protracted litigation...
Nexdigm Private Limited
We are pleased to present the latest edition of Tax Street – our newsletter that covers all the key developments and updates in the realm of taxation in India and across the globe for the month of July 2020.
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